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Prior to the TCJA, US corporations A) could repatriate earnings of Controlled Foreign Corporations to the US parent company as dividends free of US taxes
Prior to the TCJA, US corporations
A) could repatriate earnings of Controlled Foreign Corporations to the US parent company as dividends free of US taxes B)could avoid US taxes on the earnings of Controlled Foreign Corporations by keeping the earnings outside of the US C) were not taxed on Subpart F income earned by Controlled Foreign Corporations D) were taxed on only on GILTI income arned by Controlled Foreign Corporations
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